Williams Holding Group, LLC v. Board of Supervisors of West Hanover Township

101 A.3d 1202, 2014 Pa. Commw. LEXIS 458
CourtCommonwealth Court of Pennsylvania
DecidedSeptember 17, 2014
StatusPublished
Cited by31 cases

This text of 101 A.3d 1202 (Williams Holding Group, LLC v. Board of Supervisors of West Hanover Township) is published on Counsel Stack Legal Research, covering Commonwealth Court of Pennsylvania primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Williams Holding Group, LLC v. Board of Supervisors of West Hanover Township, 101 A.3d 1202, 2014 Pa. Commw. LEXIS 458 (Pa. Ct. App. 2014).

Opinions

OPINION BY

Judge BROBSON.

Appellant Williams Holding Group, LLC (Developer) appeals from an order of the Court of Common Pleas of Dauphin County (trial court). The trial court affirmed the decision of the Board of Supervisors of West Hanover Township (Township), denying Developer’s application for approval of a proposed stormwater facility as a con[1205]*1205ditional use. We reverse the trial court’s order.

Developer owns a tract of land of approximately twenty acres in West Hanover Township (Property). The Property is located in the Township’s Neighborhood Commercial Zoning District (NC). The Township’s Zoning Ordinance (Ordinance) also provides for the establishment of environmental protection overlay districts (EP-ODs) throughout the Township. There are several varieties of EPODs that may be established under the Ordinance, including stream protection overlay districts (SPODs), hillside and slope protection overlay districts (HSPODs), and wetland protection overlay districts (WPODs). The Ordinance provides for certain uses proposed within the various EPODs as conditional uses. The particular use for which Developer sought conditional use approval is a stormwater facility to be used in conjunction with Developer’s proposed development of the Property primarily as a townhouse community.

The proposed stormwater facility consists of the placement of a stormwater conveyance pipe thirty-six inches in diameter within and enclosing an approximate 369-foot1 length of an unnamed tributary of the Manada Creek. The entire length of this enclosure lies within an SPOD and HSPOD. Essentially what appears to be involved in the proposed conditional use is the enclosure of the waterway/stormwater conveyance and the placement of soil around and above the stormwater pipe such that the area, which is presently essentially a streambed with slopes on both sides, would become a level area with an embedded stream/stormwater conveyance pipe running under a roadway and/or driveways within the proposed development for the above-described distance. Thus, if Developer were permitted to construct the stormwater facility, the construction would eliminate part of the SPOD and HSPOD in that area. As discussed below in fuller detail, this result lies at the heart of the Board’s decision to deny Developer’s request for conditional use approval.

I. RELEVANT PROVISIONS OF THE ORDINANCE

Section 195-78 of the Ordinance sets forth the following general purposes of EPODs:

A. To protect drainageways and streams from development impacts.
B. To minimize negative impacts from development on hillside and slope areas.
C. To protect water features from development impacts.
D. To preserve prime agricultural soils.
E. To protect existing wooded areas.
F. To minimize wetland impacts.
G. To preserve water quality.
H. To enhance water infiltration.

The Ordinance provides the following narrative comment regarding SPODs:

The Comprehensive Plan identifies and recognizes streams and the natural areas around them as important hydrological and environmental assets. It is the intent of this section to provide appropriate standards for delineating and preserving natural and man-made waterways. These regulations are provided to protect wildlife; reduce exposure to high water and flood hazards; preserve existing vegetation along waterways; [1206]*1206minimize the negative effects on waterways from agricultural and development related erosion; minimize scenic degradation; and protect water quality by reducing and cleaning .stormwater runoff.

Section 195-79 of the Ordinance. The Ordinance also provides the following narrative regarding HSPODs:

The Comprehensive Plan recognizes steep slopes and hillsides as unique areas. Slope areas are fragile and susceptible to erosion, landslides, mudslides, degradation of their natural vegetation and increased flooding using conventional development practices. It is the intent of this section to provide reasonable standards for hillside development that guide development away from steep areas; minimize grading and other site preparation in steep areas; provide safe means for ingress and egress while minimizing scarring from hillside construction; preserve the natural conditions in steep areas; and prevent flooding and the deteriorating effects of erosion to streams and drainage areas.

Section 195-80 of the Ordinance. Although it cannot be said that these general provisions are solely aimed at avoiding the environmental harms that often result from unchecked construction in areas where the natural tendency of water is to find the closest point to sea level, it is clear-from a review of the provisions that the primary goal of the SPOD language is to preserve waterways. As to the HSPOD language, the entire paragraph refers almost entirely to concerns that arise from flooding, erosion, landslides, and was also adopted specifically to “prevent flooding and the deteriorating-effects of erosions to streams and drainage areas,” as stated in the last sentence. Thus, the harms that this language apparently seeks to avoid center on potential damage to waterways. In this case, although the proposed construction will enclose the waterway for a certain distance, there appears to be no dispute that the waterway will continue as before and will discharge into the Manada Creek.

Both the SPOD and HSPOD Ordinance provisions permit essentially the same permitted uses and conditional uses. The common permitted uses are:2

(1) Agricultural uses, such as general farming, pasture grazing, outdoor plant nurseries, horticulture, truck farming, no-till planting and wild crop harvesting.
(2) Common open space.
(3) Educational or scientific use not involving buildings or structures.
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(4/5) Trail access to the stream or drainageway and trails in linear parks.
(5/6) Passive recreational areas not involving structures.
(7) Accessory residential uses, such as gardens, play areas or fences.
(7/8) Wildlife preserves.

Section 195 — 79(C)(1)—(8) of the Ordinance3 (relating to SPODs) and Section 195-80(B)(l)-(8) of the Ordinance (relating to HSPODs).

The conditional uses allowed in SPODs and HSPODs are also essentially identical: 4

[1207]*1207(1) Accessory commercial uses, such as picnic areas or fences.
(2) Underground public utilities.
(3) Walking bridges
(4) Footpaths.
(4/5) Driveway crossings.
(5/6) Any other use requiring a federal or state encroachment permit.

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Bluebook (online)
101 A.3d 1202, 2014 Pa. Commw. LEXIS 458, Counsel Stack Legal Research, https://law.counselstack.com/opinion/williams-holding-group-llc-v-board-of-supervisors-of-west-hanover-pacommwct-2014.